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PM2.5 SIPs and Transportation Conformity

PM2.5 SIPs and Transportation Conformity. Meg Patulski, USEPA/OTAQ Chicago PM 2.5 Workshop June 20, 2007. Overview. Motor vehicle emissions budgets for transportation conformity Insignificance for conformity purposes Direct PM2.5 budgets Precursor budgets.

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PM2.5 SIPs and Transportation Conformity

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  1. PM2.5 SIPs and Transportation Conformity Meg Patulski, USEPA/OTAQ Chicago PM2.5 Workshop June 20, 2007

  2. Overview • Motor vehicle emissions budgets for transportation conformity • Insignificance for conformity purposes • Direct PM2.5 budgets • Precursor budgets

  3. Motor Vehicle Emissions Budgets • The transportation conformity rule defines the term “motor vehicle emissions budget” • A budget is the on-road mobile source portion of the SIP’s overall emissions inventory • RFP plans, attainment demonstrations, and maintenance plans contain budgets • Transportation conformity enforces SIP budgets as a ceiling

  4. Insignificance under Transportation Conformity • The conformity rule allows States to not create a SIP budget when: • A pollutant or precursor is significant to the SIP’s overall strategy, but • The on-road portion of this overall strategy is insignificant • This provision does not affect when PM2.5 precursors are considered significant or insignificant from a broader PM2.5 SIP planning perspective (more in later slides)

  5. Insignificance under Transportation Conformity • 40 CFR 93.109(k) has factors to consider: • % of on-road emissions in context of total inventory • Current state of air quality per monitoring data • Absence of on-road controls, and • Historical trends and future growth projections of on-road emissions • Conformity provision used in limited cases • E.g.,: small PM10 areas dominated by stationary or area sources (no PM10 budget), small ozone areas with large biogenic sources (no VOC budget)

  6. Direct PM2.5 Budgets • SIPs must include a direct PM2.5 budget for conformity purposes, unless on-road regional emissions are determined to be insignificant under 40 CFR 93.109(k) of the conformity rule • Direct PM2.5 budgets would always include on-road vehicle exhaust and brake and tire wear emissions • Re-entrained road dust and highway and transit construction dust would only be included in limited cases (i.e., when these dust emissions are a significant contributor)

  7. PM2.5 Precursor Budgets • A budget would be established for a PM2.5 precursor if on-road emissions need to be addressed to attain • E.g., where NOx is considered an attainment plan precursor, and on-road emissions are significant • A budget would not be established for a PM2.5 precursor if on-road emissions were considered insignificant to attain • E.g., where VOC or ammonia is not an attainment plan precursor for the overall SIP strategy • E.g., where on-road SO2 is considered insignificant

  8. Other Considerations for Budgets • Clearly identify on-road budgets that are established • Document how insignificance was determined under 40 CFR 93.109(k), when applicable • Use the latest motor vehicle emissions factor model • MOBILE6.2 for vehicle emissions (CA has its own model) • If road dust is significant, use AP-42 or EPA-approved local method • Use the latest planning assumptions that are available • Consult with metropolitan planning organizations and other transportation agencies when developing budgets

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